The Vodafone Tax Journey
Journal
Country
India
Published Date
Issue
Asia-Pacific Tax Bulletin 2012 (Volume 18), No. 3
Document
The authors describe the Vodafone controversy in India, which involves the indirect transfer of an Indian company. The key principles enunciated in the landmark decision of the Supreme Court such as the difference between tax avoidance and tax evasion, the India-Mauritius tax treaty, lifting of the corporate veil, the need for judicial reforms and so on, as well as the impact of the decision are also analysed.